Transfer pricing

The implementation of transactions between related parties involves the need to comply with a number of legal requirements imposed on the taxpayer by the legislator, which is why our specialists will help you smoothly navigate the meanders of the world of transfer pricing, eliminating or reducing the transfer pricing risks to which your business is exposed.

How can we help?

  • Preparation and verification of local as well as group transfer pricing documentation,
  • Preparation of benchmark analyses,
  • Preparation and verification of analyses of compliance of transaction terms with the arm’s length principle,
  • Support in reporting for transfer pricing purposes (preparation and verification of simplified CIT-TP/PIT-TP reports, preparation and verification of TP-R transfer pricing information),
  • Support in the identification of tax risks in the area of the company’s intra-group settlements (mapping of related parties, identification of transactions subject to documentation obligations, conducting transfer pricing reviews, so-called TP Due Diligence),
  • Support in the planning of group settlements,
  • Preparation or revision of a transfer pricing policy,
  • Development of transfer pricing tax procedures,
  • Implementation of projects involving obtaining an Advance Pricing Agreement (APA),
  • Client support in transfer pricing audits and proceedings.

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